Export Controls and Sanctions Sample Clauses

Export Controls and Sanctions. 10.2.1. Customer represents and warrants that Customer is not a citizen, national, or resident of, and is not under control of, the government of Cuba, Belarus, Iran, Sudan, Libya, North Korea, Syria, the Crimea and disputed regions of Ukraine, nor any country to which export or re-export of Goods or Software is prohibited under Export Controls or Sanctions, and that Customer and relevant Customer personnel are not Sanctions Restricted Persons.
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Export Controls and Sanctions. Parties acknowledge that either Party’s Products may be subject to export control regulations and sanctions including U.S. trade and economic sanctions, U.S. export controls, European Commission regulations, United Nations Security Council resolutions, and other similar national or international regulations (“Export Controls and Sanctions”). Each Party represents and undertakes that it and its Affiliates (i) are not named on any sanctions or export-related restricted party list, including, but not limited to, the Specially Designated Nationals and Blocked Persons List, the Foreign Sanctions Evaders List, or the Sectoral Sanctions Identification List, maintained by the Office of Foreign Assets Control of the U.S. Department of the Treasury, or the Entity List, Denied Persons List, or Unverified List, maintained by the U.S. Department of Commerce, Bureau of Industry and Security (collectively, the “Prohibited Party Lists”), (ii) are not 50 percent or more owned or controlled by, or acting on behalf of, one of more parties identified on a Prohibited Party List, (iii) are not located, organized, or resident in any of the countries and territories subject to U.S. trade embargoes (currently, Crimea, Cuba, Iran, North Korea, and Syria) (collectively, the “Embargoed Countries”) will not knowingly export, reexport or transfer the Products (or any result therefrom) directly or indirectly, to any country or a foreign national of a country in violation of any applicable Export Controls and Sanctions and (iv) will not engage in activities that would cause the other Party or its Affiliates to be in violation of Export Controls and Sanctions. You represent and warrant that all Partner Products are authorized for distribution in all jurisdictions other than the Embargoed Countries under applicable Export Controls and Sanctions and that You have obtained any required authorizations from countries that mandate import authorizations for the Partner Products. You acknowledge that UiPath is relying upon Your representations in this section and UiPath may cease distribution of the Partner Products via the Marketplace if UiPath reasonably believes that such distribution is not authorized under applicable Export Controls and Sanctions.
Export Controls and Sanctions. Your use of the Services and the Website is subject to international export controls and economic sanctions requirements. By sending, receiving, buying, selling, trading or storing DATs through the Website or Services, you agree that you will comply with those requirements. You are not permitted to acquire DATs or use any of the Services through the Website if: (1) you are in, under the control of, or a national or resident of any country subject to EU sanctions or UN sanctions or OFAC sanctions (a "Sanctioned Country"), or if you are a person who is listed on an international sanctioned list (a "Sanctioned Person"); or (2) you intend to supply any acquired or stored DATs or Services to a Sanctioned Country (or a national or resident of a Sanctioned Country) or Sanctioned Person.
Export Controls and Sanctions. (a) Neither (i) Rowan, any of its Subsidiaries, or any employee, officer, or director of Rowan or any of its Subsidiaries nor (ii) to Rowan’s knowledge, any Representative of any of the foregoing, (A) is currently or has been within the past five years the target of Trade Sanctions (including by being designated on the list of Specially Designated Nationals and Blocked Persons or on any other sanctions list maintained by the U.S. Department of Treasury’s Office of Foreign Assets Control (“OFAC”), the U.S. Department of State, the United Nations Security Council, the European Union or Her Majesty’s Treasury or direct or indirect ownership or control by one or more designated parties), or is or has been within the past five years operating, organized or resident in a country or territory that itself is the target of Trade Sanctions (currently, Crimea, Cuba, Iran, North Korea and Syria); or (B) has, directly or, to the knowledge of Rowan, indirectly, participated in the past five years in any prohibited or unlawful transaction or dealing involving a person or entity that is the target of Trade Sanctions, or with any person or entity operating, organized, or resident in a country or territory that is the target of Trade Sanctions.
Export Controls and Sanctions. (a) Neither (i) Ensco, any of its Subsidiaries, or any employee, officer, or director of Ensco or any of its Subsidiaries nor (ii) to Ensco’s knowledge, any Representative of any of the foregoing, (A) is currently or has been within the past five years the target of Trade Sanctions (including by being designated on the list of Specially Designated Nationals and Blocked Persons or on any other sanctions list maintained by OFAC, the U.S. Department of State, the United Nations Security Council, the European Union or Her Majesty’s Treasury or direct or indirect ownership or control by one or more designated parties), or is or has been within the past five years operating, organized or resident in a country or territory that itself is the target of Trade Sanctions (currently, Crimea, Cuba, Iran, North Korea and Syria); or (B) has, directly or, to the knowledge of Ensco, indirectly, participated in the past five years in any prohibited or unlawful transaction or dealing involving a person or entity that is the target of Trade Sanctions, or with any person or entity operating, organized, or resident in a country or territory that is the target of Trade Sanctions.
Export Controls and Sanctions. (a) Neither (i) Buyer, any of its Subsidiaries, or any employee, officer, or director of Buyer, nor to Buyer’s knowledge, any of its Subsidiaries nor any Representative of any of the foregoing, (A) is currently or has been within the past two years the target of Trade Sanctions (including by being designated on the list of Specially Designated Nationals and Blocked Persons or on any other sanctions list maintained by OFAC, the U.S. Department of State, the United Nations Security Council, the European Union or Her Majesty’s Treasury or direct or indirect ownership or control by one or more designated parties), or is or has been within the past two years operating, organized or resident in a country or territory that itself is the target of Trade Sanctions (currently, the Crimea region of Ukraine, Cuba, Iran, North Korea, Syria and Venezuela) in violation of Trade Sanction; or (B) has, directly or, to the knowledge of Buyer, indirectly, participated in the past two years in any prohibited or unlawful transaction or dealing involving a person or entity that is the target of Trade Sanctions, or with any person or entity operating, organized, or resident in a country or territory that is the target of Trade Sanctions.
Export Controls and Sanctions. (a) Neither (i) Parent, any of its Subsidiaries, nor to Parent’s knowledge any employee, officer, or director of Parent or any of its Subsidiaries nor (ii) to Parent’s knowledge, any Representative of any of the foregoing, (A) is currently or has been within the past 5 years the target of Trade Sanctions (including by being designated on the list of Specially Designated Nationals and Blocked Persons or on any other sanctions list maintained by OFAC, the U.S. Department of State, the United Nations Security Council, the European Union or Her Majesty’s Treasury), or is or has been within the past 5 years operating, organized or resident in a country or territory that itself is the target of Trade Sanctions (currently, Crimea, Cuba, Iran, North Korea, Sudan and Syria); or (B) has, directly or, to the knowledge of Parent, indirectly, participated in the past 5 years in any prohibited or unlawful transaction or dealing involving a person or entity that is the target of Trade Sanctions, or with any person or entity operating, organized, or resident in a country or territory that is the target of Trade Sanctions.
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Export Controls and Sanctions. 22.1 Supplier warrants and represents that neither it, nor any of its Group, nor any Personnel of any of its Group:
Export Controls and Sanctions. During the five years prior to the date of this Agreement the Company and each of its Subsidiaries, and each of their respective Representatives acting on behalf of or for the Company, have been in compliance with applicable United States export control Laws and trade, economic and financial sanctions Laws administered, enacted or enforced by any Governmental Authority with regulatory authority over the Company or any of its Subsidiaries from time to time.
Export Controls and Sanctions. The parties shall comply with all applicable export controls and sanctions restrictions, including those provided for in the Export Administration Regulations (“EAR”) (15 C.F.R. § 730 et seq.) and the Office of Foreign Assets Control (“OFAC”) regulations (31 C.F.R. § 500 et seq.). Customer warrants that it is not listed nor owned by a person that is listed on the List of Specially Designated Nationals (“SDNs”), Bureau of Industry and Security Entity List (“BIS Entity List”) or Denied Persons List (“DPL”), or otherwise a restricted party under U.S. export controls or sanctions laws. Customer shall not export, reexport, or transfer (in country) to, or use Vendor’s Cloud Services for the benefit of, a restricted party or embargoed destination without authorization from the U.S. government. If Vendor has reason to believe Customer has committed a violation of export controls or sanctions, Vendor may immediately terminate this agreement, notwithstanding the terms of the clause titled “Term and Termination”.
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